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Стр. 27
On his refusal so to do , it appealed to the Board of Tax Appeals . Limiting its inquiry to that single question , the Board heard evidence and sustained the action of the Commissioner . [ 1 ] Relying upon Blair v .
On his refusal so to do , it appealed to the Board of Tax Appeals . Limiting its inquiry to that single question , the Board heard evidence and sustained the action of the Commissioner . [ 1 ] Relying upon Blair v .
Стр. 1002
If the commissioner has mailed to the taxpayer a notice of deficiency under subdivision ( a ) of section 274 and if the taxpayer after the enactment of this Act files a petition with the Board of Tax Appeals within the time prescribed ...
If the commissioner has mailed to the taxpayer a notice of deficiency under subdivision ( a ) of section 274 and if the taxpayer after the enactment of this Act files a petition with the Board of Tax Appeals within the time prescribed ...
Стр. 1003
from bringing its suit because of the filing of its appeal with the Board of Tax Appeals on a matter entirely distinct from the question in issue in this case would be denying the plaintiff its day in court and taking its money without ...
from bringing its suit because of the filing of its appeal with the Board of Tax Appeals on a matter entirely distinct from the question in issue in this case would be denying the plaintiff its day in court and taking its money without ...
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action additional affirmed agreed agreement alleged allowed amount Appeals applied assessment authority bank bill Board bonds cause cent charged checks Circuit Circuit Judge City claim Commissioner Company contention contract corporation court decision defendant deposit determined directed District Court District Judge door effect entitled evidence executed fact filed finding follows funds further given held included income interest Internal Revenue involved issued judgment June land letter March matter means ment mining notes notice operation opinion paid parties patent payment period petition petitioner plaintiff present prior proceedings profits question reason received record referred respect result Revenue Act rule secured shares shown statute sufficient suit tion trial trust United USCA warehouses York